Italy

Italy has 99 tax agreements in force, as reported in its response to the Peer Review questionnaire. One of those agreements, the agreement with Chile, complies with the minimum standard.

Italy signed the MLI in 2017 and has not listed its agreements with Albania, Congo, Montenegro, North Macedonia, Oman, Panama and Trinidad and Tobago. These agreements will therefore not, at this stage, be modified by the MLI. Albania, North Macedonia, Oman and Panama have listed their agreements with Italy under the MLI.

Italy indicated in its response to the Peer Review questionnaire that the agreements not listed under the MLI were concluded with treaty partners that were not Ad Hoc Group members at the time of Italy’s signature of the MLI.

Italy is implementing the minimum standard through the inclusion of the preamble statement and the PPT.1

The agreements that will be modified by the MLI will come into compliance with the minimum standard once the provisions of the MLI take effect.

Italy’s listed agreements under the MLI will start to be compliant after Italy’s ratification of the MLI. Italy is encouraged to ratify the MLI as soon as possible.

As mentioned above, Italy has not listed its agreements with Albania, Congo, Montenegro, North Macedonia, Oman, Panama and Trinidad and Tobago under the MLI. Listing the agreements under the MLI or entering into bilateral renegotiations to implement the minimum standard would ensure that the minimum standard could be implemented in those non-covered agreements.

Note

← 1. For its 80 agreements listed under the MLI, Italy is implementing the preamble statement (Article 6 of the MLI). For 67 of its agreements listed under the MLI, Italy is implementing the PPT (Article 7 of the MLI). Thirteen of Italy’s agreements, the agreements with Azerbaijan*, Estonia, Hong Kong, Iceland, Kazakhstan, Kuwait*, Latvia, Lebanon*, Lithuania, Mongolia, Qatar, San Marino and Saudi Arabia, are within the scope of a reservation made by Italy under Article 7(15)(b) of the MLI. Italy made a reservation pursuant to Article 7(15)(b) of the MLI not to apply Article 7(1) of the MLI with respect to agreements, which already contain a PPT.

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